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Map ID <br />MAP FINDINGS <br />Direction <br />Distance <br />EDR ID Number <br />Elevation Site <br />Database(s) EPA ID Number <br />J B HUNT TRANSPORT INC (Continued) S121773713 <br />generator knowledge or applying testing method. <br />Violation Notes: <br />Returned to compliance on 09/10/2019. Oil -water separator waste is <br />currently being disposed of by Safety-Kleen as non hazardous waste. <br />Any person who generates a waste shall determine if the waste is a <br />hazardous waste. Make a hazardous waste determination for the <br />oil -water separator waste and manage it according the Title 22 <br />hazardous waste regulations. Submit a statement and supporting <br />documentation explaining how this waste was managed. <br />Violation Division: <br />San Joaquin County Environmental Health <br />Violation Program: <br />HW <br />Violation Source: <br />CERS <br />Site ID: <br />395262 <br />Site Name: <br />J B HUNT TRANSPORT INC <br />Violation Date: <br />01-18-2019 <br />Citation: <br />HSC 6.67 25270.4.5(a) - California Health and Safety Code, Chapter <br />6.67, Section(s) 25270.4.5(a) <br />Violation Description: <br />Failure to state reasons for nonconformance and describe equivalent <br />methods in detail if claiming equivalent environmental protection for <br />SPCC requirements other than secondary containment. <br />Violation Notes: <br />Returned to compliance on 02/12/2019. The Spill Prevention, Control, <br />and Countermeasure (SPCC) failed to discuss alternative environmental <br />protection requirements. The SPCC plan does not explain how it <br />achieves environmental protection equivalent to the applicable <br />industry standard or the reasons for nonconformance. The industry <br />standard, STI SP -001, calls for integrity testing by a certified STI <br />SP -001 inspector, every 20 years, per the certifying professional <br />engineer. The SPCC plan also seems to use secondary containment of the <br />15,000 gallon tank for the environmental equivalence. If the SPCC Plan <br />does not conform to the applicable requirements, the reasons for <br />nonconformance must stated and the alternate methods to achieve <br />equivalent environmental protection must be described in detail in the <br />Plan. Immediately amend the SPCC Plan to include a discussion of <br />equivalent environmental protection. Note: EPA noted in a May 2004 <br />letter to the Petroleum Marketers Association of America (PMAA), the <br />presence of sized second <br />Violation Division: <br />San Joaquin County Environmental Health <br />Violation Program: <br />APSA <br />Violation Source: <br />CERS <br />Site ID: <br />395262 <br />Site Name: <br />J B HUNT TRANSPORT INC <br />Violation Date: <br />05-22-2015 <br />Citation: <br />22 CCR 12 66262.34(a) - California Code of Regulations, Title 22, <br />Chapter 12, Section(s) 66262.34(a) <br />Violation Description: <br />Failure to obtain a permit or grant of interim status to accumulate <br />hazardous waste longer than 90 days. <br />Violation Notes: <br />Returned to compliance on 06/19/2015. A black 55 gallon container of <br />waste paint from the aerosol can puncturer was on site longer than 90 <br />days. The start accumulation date on the container was December 9, <br />2014. Facilities who generate more than 1000 kg of hazardous waste per <br />month may store waste on site up to 90 days. Immediately contact a <br />licensed hazardous waste hauler to dispose of this waste under <br />manifest and submit a copy of the manifest to the EHD. <br />Violation Division: <br />San Joaquin County Environmental Health <br />Violation Program: <br />HW <br />Violation Source: <br />CERS <br />TC6327721.2s Page 40 <br />